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Contents

Official guidance
Inheritance Tax Manual

IHTM27000 · Foreign property

  • IHTM27001 · Introduction
  • IHTM27023 · Valuation of assets: unlisted foreign shares
  • IHTM27031 · Valuation of assets: household and personal goods
  • IHTM27032 · Valuation of assets: deduction of foreign debts
  • IHTM27042 · Valuation of assets: loss on sale of foreign land
  • IHTM27043 · Valuation of assets: fall in value relief on foreign land or buildings
  • IHTM27050 · Valuation of assets: deduction for administration of non-UK assets
  • IHTM27052 · Valuation of assets: claims for compensation
  • IHTM27053 · Valuation of assets: foreign rulers and sovereign immunity
  • IHTM27054 · Valuation of assets: usufruct
  • IHTM27060 · Blocked assets
  • IHTM27071 · Locality of assets (situs): introduction
  • IHTM27072 · Locality of assets (situs): unadministered estates
  • IHTM27073 · Locality of assets (situs): ships
  • IHTM27074 · Locality of assets (situs): land and interests in land
  • IHTM27075 · Locality of assets (situs): household and personal goods
  • IHTM27076 · Locality of assets (situs): bearer securities
  • IHTM27077 · Locality of assets (situs): Eurobonds
  • IHTM27079 · Specialty debts: bonds and debentures under seal
  • IHTM27080 · Specialty debts: Treasury Bills, British Savings Bonds, National Savings Income Bonds
  • IHTM27091 · Debts: contractual
  • IHTM27092 · Debts: debts in Scotland
  • IHTM27093 · Debts: bank accounts
  • IHTM27101 · Money from a life policy: general rule
  • IHTM27102 · Money from a life policy: payment made at place other than Head Office
  • IHTM27103 · Money from a life policy: policy issued at branch office
  • IHTM27104 · Money from a life policy: policies under seal
  • IHTM27121 · Inscribed and registered securities: usual location
  • IHTM27122 · Inscribed and registered securities: branch registers
  • IHTM27123 · Inscribed and registered securities: effectiveness of register
  • IHTM27124 · Inscribed and registered securities: overseas branch registers of UK companies
  • IHTM27125 · Inscribed and registered securities: duplicate or multiple registers of non-UK companies
  • IHTM27127 · Canadian companies: transfer agencies
  • IHTM27128 · Canadian companies: branch registers of British Colombian and Newfoundland companies
  • IHTM27129 · Canadian companies: Nova Scotia companies
  • IHTM27141 · Securities issued by international organisations: list of non-UK situs organisations
  • IHTM27142 · Securities issued by international organisations: designated as non-UK by Treasury
  • IHTM27143 · Securities issued by international organisations: OECD & Inter-American Development Bank
  • IHTM27150 · Securities issued by international organisations: share certificates endorsed in blank
  • IHTM27160 · Double Taxation Conventions: What is Double Taxation Relief?
  • IHTM27161 · Double Taxation Conventions: introduction
  • IHTM27163 · Double Taxation Conventions: exchange of information: why exchange information?
  • IHTM27164 · Double Taxation Conventions: exchange of information: information bulletin procedure with convention partners (form 730)
  • IHTM27165 · Double Taxation Conventions: exchange of information: list of conventions
  • IHTM27168 · Double Taxation Conventions: Republic of Ireland
  • IHTM27169 · Double Taxation Conventions: South Africa
  • IHTM27170 · Double Taxation Conventions: USA
  • IHTM27171 · Double Taxation Conventions: Netherlands
  • IHTM27172 · Double Taxation Conventions: Sweden
  • IHTM27173 · Double Taxation Conventions: Switzerland
  • IHTM27174 · Double Taxation Conventions: France
  • IHTM27175 · Double Taxation Conventions: Italy
  • IHTM27177 · Double Taxation Conventions: certification and taxing rights: USA
  • IHTM27178 · Double Taxation Conventions: certification and taxing rights: South Africa
  • IHTM27183 · Double Taxation Conventions: Double Taxation Relief: when a claim is made
  • IHTM27185 · Double Taxation: Unilateral Relief
  • IHTM27186 · Double Taxation Conventions: Unilateral Relief: which provisions apply?
  • IHTM27187 · Double Taxation Conventions: Unilateral Relief: relief under IHTA84/S159 (2)
  • IHTM27188 · Double Taxation Conventions: Unilateral Relief: relief under IHTA84/S159 (3) and S159 (4)
  • IHTM27189 · Double Taxation Conventions: Unilateral Relief: procedure when both IHTA84/S159 (2) and S159 (3) apply
  • IHTM27190 · Double Taxation Conventions: procedure: procedure with convention partners
  • IHTM27200 · Double Taxation: procedure when both forms of relief apply
  • IHTM27201 · Double Taxation Relief: procedure for relief by concession on shares
  • IHTM27202 · Double Taxation Conventions: proper law of settlement
  • IHTM27211 · Property excluded from Inheritance Tax: introduction
  • IHTM27212 · Property excluded from Inheritance Tax: foreign unsettled property
  • IHTM27220 · Property excluded from Inheritance Tax: foreign settled property
  • IHTM27230 · Property excluded from Inheritance Tax: reversionary interests
  • IHTM27241 · Specific British Government Securities: introduction
  • IHTM27247 · Discretionary trusts and exempt securities: introduction
  • IHTM27248 · Discretionary trusts and exempt securities: unknown persons
  • IHTM27249 · Discretionary trusts and exempt securities: charities
  • IHTM27250 · Discretionary trusts and exempt securities: exit charge
  • IHTM27251 · Discretionary trusts and exempt securities: anti-avoidance rules
  • IHTM27252 · Discretionary trusts and exempt securities: exception for certain settled reversions
  • IHTM27260 · Specific British Government Securities: exclusion of interest on exempt securities
  • IHTM27261 · Specific British Government Securities: exclusion of repayment of Income Tax on exempt securities
  • IHTM27262 · Specific British Government Securities: reversionary interest in exempt securities
  • IHTM27263 · Specific British Government Securities: exempt securities in unadministered estates
  • IHTM27264 · Specific British Government Securities: exempt securities as partnership assets
  • IHTM27270 · Property excluded from Inheritance Tax: specific savings held by taxpayers in Channel Islands or Isle of Man (transfers before 6 April 2025)
  • IHTM27272 · Specific property of visiting forces and staff of Allied Headquarters: introduction
  • IHTM27273 · Specific property of visiting forces and staff of Allied Headquarters: assets excluded from UK Inheritance Tax
  • IHTM27274 · Specific property of visiting forces and staff of Allied Headquarters: qualifying person
  • IHTM27275 · Specific property of visiting forces and staff of Allied Headquarters: list of designated countries
  • IHTM27011 · Investigation of form IHT417: introduction
  • IHTM27012 · Investigation of form IHT417: service
  • IHTM27013 · Investigation of form IHT417: Compliance Group
  • IHTM27022 · Valuation of assets: listed foreign shares
  • IHTM27024 · Valuation of assets: loss on sale of shares
  • IHTM27025 · Valuation of assets: fall in value relief
  • IHTM27041 · Valuation of assets: foreign land or buildings: procedure
  • IHTM27051 · Valuation of assets: conversion of foreign currency
  • IHTM27151 · Securities issued by international organisations: bank or building society accounts in the Channel Islands and Isle of Man
  • IHTM27166 · Double Taxation Conventions: exchange of information: information bulletin received from convention countries
  • IHTM27176 · Double Taxation Conventions: certificate of tax paid: procedure with non-convention countries
  • IHTM27181 · Double Taxation Conventions: Double Taxation Relief: what is the relief?
  • IHTM27182 · Double Taxation Conventions: Double Taxation Relief: credit for relief claimed before grant
  1. Foreign property: contents
  2. Foreign property: specialty debts: bonds and debentures under seal

IHTM27079 | Foreign property: specialty debts: bonds and debentures under seal

From HM Revenue & Customs · Inheritance Tax Manual

A specialty debt is:

  • a debt made by deed, or

  • a deed which records or creates obligations, or

  • a debt incurred by way of statute, or

  • a certain type of debt that is given the nature of a specialty debt by statute

The debt may be secured or unsecured. At present the law by which the situs of such debts is determined is largely set out in a number of Privy Council decisions from 1891 onwards.

HMRC has revised its previous approach to the Inheritance Tax (IHT) treatment of such debts, which was that where the debt is situated depends on where the relevant document is to be found. HMRC will take the following approach, which will apply regardless of when the specialty debt was created.

Secured specialty debts

Where the debt is solely secured on land or other tangible property situated in the UK the situs of the debt will also be in the UK. HMRC considers the situs of the debt follows the genuine interest of the creditor in the secured property, not merely the personal obligation of the debtor to repay (which may be situated elsewhere, for example where the debtor is resident).

Any claim that a debt secured on UK assets is not UK situs property must be sent to Technical.

Unsecured specialty debts

Where the debt is not secured the view of the Courts is that the situs of the debt is usually where the relevant deed or instrument evidencing the debt is found. HMRC will generally adopt this approach to unsecured specialty debts. However, it is possible to exploit this approach artificially by, for example, removing the document from the UK to avoid an IHT charge. Where the creditor and debtor are both resident in the UK but the deed evidencing the debt has been removed from the UK, it may be possible for HMRC to argue that the debt is nevertheless situated in the UK for the purposes of the IHT charge. For this reason all cases in which a specialty debt is claimed to be situated outside the UK should be referred to Technical.

Finance (No 2) Act 2017

From 6 April 2017, in cases where the loan monies have been used by the debtor to acquire UK residential property, then you should also consider the guidance at IHTM04313. In such a case the debt may not be excluded property for IHT purposes even if it is regarded as having a situs outside the UK.

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